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Taxation (Annual Rates, Employee Allowances, and Remedial Matters) PDF

310 Pages·2014·1.55 MB·English
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Taxation (Annual Rates, Employee Allowances, and Remedial Matters) Bill Officials’ Report to the Finance and Expenditure Committee on Submissions on the Bill March 2014 Prepared by Policy & Strategy, Inland Revenue, and the Treasury CONTENTS Employee allowances 1 Overview 3 Employee accommodation 4 Issue: Support for accommodation framework 4 Issue: ―Net benefit‖ test 5 Issue: Taxable accommodation benefits and definition of ―accommodation‖ 6 Issue: Application of exemptions to payments 7 Issue: Lump sum reimbursements 8 Issue: Definition of ―workplace‖ 8 Issue: Accommodation subject to sections CW 16B to 16F 9 Issue: ―Office or position‖ 10 Issue: Meaning of ―living premises‖ 10 Issue: Guidance on ―reasonable daily travelling distance‖ 11 Issue: Out-of-town secondment accommodation payments made by company employee is seconded to 11 Issue: Extension of two-year rule to new employees 12 Issue: Distant workplace 13 Issue: Multiple workplace rule should apply to those with a home office 14 Issue: Capital project exemption should be extended 15 Issue: Associated person restriction should be removed from ―project of limited duration‖ 15 Issue: Change of expectation from over- to under-time limits 16 Issue: Change of expectation from under to over time limits 17 Issue: Clarification of status of time limits 17 Issue: Timing of change in expectation 18 Issue: Travel to distant workplace 18 Issue: Application date 19 Issue: Retrospective application should apply regardless of pre-December 2012 position 20 Issue: Amendments to proposed section CZ 30 21 Issue: Choice to backdate application 21 Issue: Treatment of applications to re-file before bill passed 22 Issue: Canterbury earthquake measures application date 23 Issue: Generic rule should be added for adverse events 23 Issue: Exceptional circumstances – Canterbury provisions 24 Issue: Increased monitoring requirements resulting from the new rules 24 Employee accommodation – determining taxable value 26 Issue: Accommodation provided where the employee normally works shifts at a distant workplace for regular periods from which they cannot return home on a daily basis 26 Issue: FIFO workers’ accommodation 27 Issue: Mobile workers and multiple workplace rule 28 Issue: Valuation of accommodation when the employer requires the employee to live ―on the job‖ 28 Issue: Total exemption should be granted for ministers of religion 31 Issue: Simplification of proposed section CW 25B 32 Issue: Adjustment for work use of church-provided accommodation 32 Issue: Adjustment for employee contribution to church-provided accommodation 33 Issue: Ministers of religion employed by charities 33 Issue: Definition of ―minister of religion‖ 34 Issue: Meaning of ―market rental value commensurate with duties‖ 35 Issue: Adjustment for use of accommodation for business purposes 35 Issue: Adjustments to taxable value of accommodation and accommodation payments 36 Issue: Valuation of overseas accommodation 37 Issue: Defence valuation rule should be extended to cover police housing 38 Meals 39 Issue: Support for proposed meal exemptions 39 Issue: Inclusion of allowance, daily allowance and reimbursement in exempt income 39 Issue: Provision to clarify relationship with FBT rules 40 Issue: Ensure clarity between allowances, FBT and entertainment tax rules for on-premises meals 40 Issue: Extend section CX 19 to cover benefits that if paid as an allowance would be exempt 41 Issue: Clarification: two exemptions are provided 41 Issue: Light refreshments on premises should also be available to part-time employees 42 Issue: Light refreshments should be extended 42 Issue: Scope of working meal exemption too narrow 43 Issue: Meal provision drafting issues 43 Issue: Meal exemption time limit 44 Issue: Restarting of time period for exemption 45 Issue: Flexibility of time limits 45 Issue: Application date of meal allowance provisions 46 Distinctive work clothing 47 Issue: Clothing proposal should proceed 47 Issue: Exemption should be extended 47 Issue: Exemption requires amendments to ensure plain clothes police covered 48 Issue: Wording of proposed section CW 17CC(3)(c)(ii) should be revised 49 Determinations 50 Issue: Drafting clarifications in clause 21 50 Issue: Determinations for a ―wide‖ group of employees 50 Issue: Determination on communication payments 51 Issue: Consultation on determinations 51 Issue: Determination power should not be limited as proposed 52 Other matters 53 Issue: Extension of FBT health and safety exemption to reimbursing payments made by employers 53 Issue: Eye care payments 53 Issue: Travel costs for FIFO workers 55 Issue: Minor drafting matters 55 Issue: Other minor drafting matters 56 Thin capitalisation rules 57 Overview 59 General comments 60 Issue: General comments on the changes 60 Issue: Treatment of look-through entities 61 Issue: Allowable debt test for single non-resident controllers 62 Issue: Complexity of the proposed amendments 63 Issue: Introduction of a de minimis threshold 64 Issue: Revised guidance on the rules 65 Issue: Grandparenting 65 Issue: Changes to the introductory section 66 Issue: Application date 66 Persons the rules apply to 67 Issue: Use of the term ―acting as a group‖ 67 Issue: The meaning of ―control by any other means‖ is unclear 68 Issue: Meaning of ―settlements‖ on a trust 69 Non-resident owning body 70 Issue: General comment on the definition 70 Issue: Use of ―ownership interests‖ and ―direct ownership interests‖ 71 Issue: Use of the term ―approximately‖ 71 Issue: Proportionality does not imply acting together 72 Issue: Shareholder agreement clause is too wide 73 Issue: Rights exercised as recommended by a person 74 Issue: Exclusion for security interests is appropriate 76 Asset uplifts 77 Issue: Asset uplift proposal should not proceed 77 Issue: Asset uplift rules should only apply prospectively 78 Issue: Uplift as part of a larger restructure 78 Issue: Exemptions to the uplift rule are appropriate 79 Issue: Optional nature of the exemptions 80 Worldwide group debt test 81 Issue: Extent of owner-linked debt rule 81 Issue: Carve-out for widely held debt 82 Issue: Direct ownership interests and amendments to section FE 41 84 Other matters 85 Issue: References to ―associated person‖ in sections FE 2 and FE 26 85 Issue: Extension of on-lending concession for trusts 85 Issue: Grouping rules for trustees 86 Issue: Reference to non-resident owning body in section FE 25 87 Issue: Worldwide group of those acting together 87 Issue: Exclusion of indirect CFC and FIF interests 88 Issue: Rules to ensure debt and asset is used only once 89 Issue: Technical amendment to section FE 18 89 Issue: Drafting matters 90 Black hole expenditure 91 Overview 93 Applications for resource consents, patents and plant variety rights 94 Issue: Support for the proposals 94 Issue: Expenditure incurred on lapsed resource consents should be deductible 94 Issue: Application date for proposed amendments to sections DB 19 and DB 37 95 Issue: Clarification of deductible patent and resource consent expenditure 96 Claw-back for subsequent applications or disposals 97 Issue: Support for the proposals 97 Issue: The claw-back provision overreaches 97 Issue: When clawed-back income should be returned 98 Issue: Claw-back of deductions for subsequent applications 98 Issue: Remove unnecessary provisions in proposed new section CG 7B 99 Issue: Relationship between proposed new section CG 7B and sections EE 25 and EE 57 100 Issue: Inclusion of ―plant variety rights‖ in section EE 57 100 Fixed-life resource consents 102 Issue: Support for the proposal 102 Issue: Other fixed-life resource consents 102 Company administration costs 103 Issue: Support for parts of the proposals 103 Issue: Extend application of proposed section DB 63B to include all fees paid to a recognised stock exchange 103 Issue: Tax treatment of special shareholder meeting costs 104 Issue: Clarification of ―meeting costs‖ 105 Issue: Application dates for the proposed new sections DB 63, DB 63B and DB 63C(1) 106 Other submissions 107 Issue: Further ―black hole‖ expenditure issues 107 Foreign account information-sharing agreements 109 Overview 111 Opposed to the changes 112 Issue: Should the proposed legislation for foreign account information-sharing agreements be advanced? 112 Issue: Privacy concerns 115 Issue: Discrimination 116 Issue: The US basis of taxation 116 Issue: Reporting ―overreach‖ 117 Issue: Sovereignty issues 118 Issue: Other matters raised 119 Technical matters 124 Issue: Criminal penalties 124 Issue: Transition period 125 Issue: Timeframes for reporting 126 Issue: Excluded choices 127 Issue: Permitted choices 128 Issue: The information required to be provided 129 Issue: ―Reasonableness‖ standard 130 Issue: ―Contemplated by the agreement‖ too broad 130 Issue: Defining a ―valid request‖ 131 Issue: Guidance for New Zealand financial institutions 132 Issue: Solicitors’ trust accounts 132 Issue: Information provided and Privacy Act breaches 133 Issue: Tax credits 133 Matter raised by the Committee 135 Deregistration of charities 137 Overview 139 End of ―tax charity‖ status and grace-period for compliant entities 140 Issue: Compliance with the relevant constitutional documents or other information supplied to the Charities Commission or Board at the time of applying for registration 140 Issue: It is unclear why ―day of final decision‖ should be used as an end point for the grace-period 141 Issue: Grace-period for compliant entities should be retrospective 142 Transition from tax-exempt status 143 Issue: The application of other income tax exemptions to deregistered charities 143 Issue: Market value should be an option for valuation 144 Issue: The operation of new section HR 11(5) should be clarified 144 Issue: Entities should be able to elect to be a Māori authority retrospectively 145 Treatment of accumulated assets 146 Issue: New sections CV 17 and HR 12 should not be introduced, pending a thorough review 146 Issue: The tax on net assets should be paid a year after the day of final decision, rather than a year after deregistration 147 Issue: Gifts of money should be excluded from the net assets calculations 148 Issue: The tax on net assets should not apply to entities which have retrospective income tax liabilities 150 Issue: Split application date should be reconsidered 150 Issue: Section HR 12 should be limited to tax which would have been payable had the entity never been charitable 151 Issue: Clarifying the meaning of ―liabilities‖ 153 Issue: New section HR 12 should not apply to entities which are re-registered before the 12-month period ends 153 Effect of deregistration on fringe benefit tax and donee organisation status 154 Issue: Consequences for donors should be dealt with at an administrative, rather than legislative level 154 Issue: Extending donee status to all registered charities 155 Issue: No protection for donors in relation to gifts to approved donee organisations on Inland Revenue’s website 155 Drafting issues 157 Issue: Use of the terms ―ceased charities‖ and ―date of cessation‖ 157 Issue: Use of the term ―person‖ 157 Issue: Use of the term ―Charities Commissioner‖ 158 Issue: Use of undefined terms 158 Issue: Eligibility to derive exempt income in section HR 12 159 Issue: Clarify what ―distribution‖ means 159 Issue: Clarify whether gifts are to be disregarded in section HR 12 regardless of their current form 160 Issue: Clarify the definition of ―net assets‖ 160 Issue: Suggested alternate approach to the amendments to section CW 41 161 Issue: Clarify that non-compliance with the entity’s constitution or rules does not necessarily mean it does not meet the requirements in new section CW 41(1) 162 Issue: Drafting should recognise that the effective date of registration could be before the day an entity is registered 162 Issue: Use of the term ―day of final decision‖ 163 Issue: The drafting of section HC 31 should mirror that of section HR 11(1) 163 Issue: Section CV 17 need not deal with the timing of derivation of the relevant income 164 Issue: Proposed amendments in clauses 110 and 123(6) are potentially misleading 164 Issue: Drafting of donee organisation status 165 Issue: Extension of FBT status 166 Issue: Drafting of section HR 12 166 Other matters 167 Issue: Administrative guidance on meaning of ―benevolent‖, ―philanthropic‖, ―cultural‖ and ―charitable‖ should be provided 167 Issue: ―Declined‖ charities 167 Issue: Amendments should be made to the Charities Act 2005 168 Issue: The rules should also apply to charities which are required to obtain approval from the Commissioner of Inland Revenue 168 Issue: An exemption from income tax should be given where an entity has a short break in registration 169 Issue: New section HR 11 should be broadened to apply to other entities that cease to be eligible for a tax exemption 171 Issue: Guidance should be given on how to establish the cost of prepayments 171 Issue: Mistakenly applying funds for a non-charitable purpose 172 Issue: Consideration should be given to enacting more tax exemptions 172 Issue: Exemption for amateur sport promoters 173 Tax status of certain community housing entities 175 Overview 177 Support for the policy intent underlying the community housing entity proposals 178 Eligibility criteria 179 Issue: Recipient class defined by reference to an income threshold 179 Issue: Provision of new housing criterion 180 Issue: Reinvestment of profits criterion 181 Issue: Registration with the new Regulatory Housing Authority criterion 181 Regulation-making power 183 Other matters 184 Issue: Use of the term ―business‖ 184 Issue: Use of the terms ―beneficiaries‖ and ―clients‖ 184 Issue: Scope of the exemption provision 185 Issue: Scope of the donee status provision 186 Issue: Continuation of the tax-exempt status for already deregistered charities 186 Other policy matters 189 Land-related lease payments 191 Issue: Support for aspects of the reform 191 Issue: Glasgow-type leases are akin to freehold estates 191 Issue: Glasgow-type leases should be depreciable property 192 Issue: Application date of Glasgow lease amendment 193 Issue: Premium paid on grant of Glasgow leases 193 Issue: Lease transfer payments amendment is not necessary 194 Issue: Drafting of the lease transfer payments provision 194 Issue: Scope of lease transfer payments amendment 195 Issue: Aligning section DB 20B with new section CC 1B 196 Issue: Residential premises exemption needs amendment 196 Issue: Wash-up of deductions if the lease is terminated early 197 Issue: Permanent easement exclusion 198 Financial arrangements – agreements for the sale and purchase of property or services in foreign currency 199 Issue: Support for proposed changes 199 Issue: Lowest price clauses and interest explicitly included in agreements for non-IFRS taxpayers 199 Issue: Definition of 12-month ASAP 200 Issue: Definition of ―foreign ASAP‖ 201 Issue: Revenue account property/trading stock 201 Issue: Transitional provisions 202 Issue: Deposits/payments for progress made 203 Issue: Sale and purchase of services 203 Issue: Consistency requirements 204 Issue: Interest-free loans 204 Issue: Appropriate spreading methods for foreign currency ASAPs 205 Issue: Use of spot rates to convert foreign currency payments 206 Issue: Elections by non-IFRS taxpayers to use foreign currency hedging 206 Issue: Future and discounted valuing 207 Issue: Life financial reinsurance contracts which may be foreign ASAPs 208 Acquisition date of land 209 Issue: The amendment is not needed 209 Issue: The drafting of section CB 15B 210 Issue: The timing of the test of a person’s intention and purpose 211 Issue: Proposed section CB 15B should be deleted or reconsidered more substantially 212 Issue: Purpose and intention of the subsequent nominee, nominated transferee or assignee 213 Issue: Definition of ―interest in land‖ 214 Issue: Alignment with the definition of ―land‖ 215 Issue: Previous interests and estates in land with an option 215 Issue: Timing in subpart FB and FC 216 Issue: Section 225 of the Resource Management Act 1991 217 Issue: Proposed section CB 15B should not apply to other land-related provisions 218 Issue: Correction of the application date of new section CB 15B 218 Issue: Clarify that the application date can be retrospective 219 Issue: Deferral or limitation of the application date 219 Repeal of the substituting debenture rule 221 Issue: Support for the proposal 221 Issue: Transitional provision and application dates 221 Issue: Transitional provision – clarifications 222 Issue: Transitional provision – effect on shareholder continuity 223 Issue: Tailoring the transitional provision 223 Issue: Grandparenting of existing transactions 224 Withholding tax and inflation-indexed bonds 226 Classification of mining permits as real property for tax purposes 227 Issue: Whether the amendment creates uncertainty 227 Issue: Classification of mining permits as real property for goods and services tax purposes 228 Employee share schemes and PAYE 229 Associated persons and person with a power of appointment or removal 230 Extending the tax exemption for non-resident offshore oil rig and seismic vessel operators 231 Issue: Extending the exemption to other vessels 231 Issue: Modular rigs 231 Issue: Prospecting activities 232 Issue: Extended exemption 232 Underground gas storage 233 Issue: Scope of the proposed provision 233 Issue: Grandparenting existing arrangements 233 Over-crediting of imputation credits in excess of FIF income 234 Whether a trustee of a head-trust is a settlor of a sub-trust 235 Taxation of life insurance business – matching expenditure to income 236 Remedial matters 239 GST remedials 241 Issue: Retirement villages and rest homes 241 Issue: Dwelling definition 242 Issue: Requirement to be registered 243 Issue: Wash-up rule – definition of actual deduction 244 Issue: Wash-up rule – registration after acquiring goods and services 244 Issue: Procurement of a lease 245 Issue: Section 11(8D) – drafting suggestions 245 Issue: Surrenders and assignments of land 246 Issue: Surrender of an interest in land 246 Issue: Other rights and obligations in respect of land 247 Issue: Deemed supply of land on disposal 247 Issue: Zero-rated services supplied to non-residents 248 Issue: Scope of the hire purchase definition 249 Issue: Apportionment rules 250 Issue: Agency rules 250 Issue: Credit and debit notes 251 Issue: Zero-rating tooling costs 251 Issue: Non-resident registration rules 252 Issue: Wash-up rule 253 CFC remedials 254 Issue: Foreign exchange gains and losses on liabilities 254 Issue: CFCs with offshore branches should be able to join test groups 254 Issue: Application date for relocation of apportioned funding income 255 Issue: Section DB 55 should not be repealed 256 Issue: Repeal of section DB 55 application date 257 Issue: Repeal of DB 55 savings provision 258 Issue: Nexus requirement under section DB 55 258 Issue: Removing Australian unit trusts from the Australian exemption 259 Issue: Application date for removing Australian unit trusts from the Australian exemption 260 Issue: Further guidance material on CFC remedials 261 Issue: Indirect interests in FIFs 261 Issue: Extending the on-lending concessions and exemptions for group funding 262 Mixed-use asset remedials 263 Issue: Support for remedial amendments 263 Issue: Minor technical issues with remedial amendments 263 Issue: Further mixed-use asset amendments 264 Issue: In certain circumstances, the asset value is too high for land 264 Issue: Quarantined losses and depreciation recovery income 266 Issue: Taxation of exempt income when distributed to shareholders 268 Issue: Clarification of application to shareholders who lease assets to subsidiaries 269 Issue: Amendment to deal with capital use of a mixed-use asset 269 Issue: Different definition of ―asset income‖ for quarantining rules 271 Look-through companies 273 Issue: Support for the amendment 273 Issue: Further reforms to the LTC rules 273 Unacceptable tax position shortfall penalty 274 Issue: Support for the amendment 274 Issue: Drafting 274 Setting new due date for payment of tax 275 Issue: Extension of provision 275 Serious hardship 276 Issue: Support for the proposal 276 Issue: Relevant factors in determining ―serious hardship‖ 276 WFF – changes to definition of ―family scheme income‖ 277 PIE remedials 278 Issue: Entry and exit fees 278 Issue: Disposal of certain shares by a PIE 278 Removal of 20% uplift from land improvement provisions 280 Remitted amounts on discharge from bankruptcy 281 Loss group contingent on group loss company satisfying its liabilities for deductible expenditure 282 Issue: Income derived in trust by public and local authorities 288 Issue: Spreading of income derived from land 290 Rewrite amendment 291 Issue: Rewrite amendments relating to use of foreign balance dates 291 Issue: Tax Administration Act 1994: Cross-references to sections 108 and 109 291 Non-cash dividends 293 Issue: Drafting correction 293 Issue: Reconciling tax treatment of bonus issues 293 Minor drafting points 294 Matters raised by officials 295 Child Support 297 Issue: Deferred application dates 297 Issue: Payment waiver when non-parent receiving carer is in receipt of a social security benefit 297 Mineral mining remedials 299

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Taxation (Annual Rates, Employee. Allowances, and Remedial Matters) Bill. Officials' Report to the Finance and Expenditure. Committee on Submissions on the Bill. March 2014. Prepared by Policy & Strategy, Inland Revenue, and the Treasury
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